ARTICLE
3 May 2023

No Change In DOL/Treasury Guidance For Employer Health Plans Issued Before Declared End Of COVID-19 National Emergency

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Ogletree, Deakins, Nash, Smoak & Stewart

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Ogletree Deakins is a labor and employment law firm representing management in all types of employment-related legal matters. Ogletree Deakins has more than 850 attorneys located in 53 offices across the United States and in Europe, Canada, and Mexico. The firm represents a range of clients, from small businesses to Fortune 50 companies.
What does the April 10, 2023, early end of the COVID-19 National Emergency declaration mean for employer health plans?
United States Coronavirus (COVID-19)

What does the April 10, 2023, early end of the COVID-19 National Emergency declaration mean for employer health plans?

Well, nothing, actually.

That's because the U.S. Department of Labor (DOL) and the U.S. Department of the Treasury are sticking with the guidance in the form of frequently asked questions (FAQs) that they issued on March 29, 2023, before President Biden signed into law House Joint Resolution 7 (H. J. Res. 7) on April 10, 2023, declaring an immediate end to the National Emergency declaration that had been in effect since March 2020.

The March 29 guidance focused on unwinding the 2020 and 2021 extensions of certain deadlines for continuing health benefits under COBRA, for special enrollment, and for filing claims and appeals—all of which hinged on the end date of the National Emergency. The March 29 guidance also addressed the wind-down of a separate federal emergency order—the COVID-19 public health emergency (PHE). (The PHE was declared by the secretary of the U.S. Department of Health and Human Services on January 31, 2020, and has been renewed every ninety days since. The PHE, which affects the requirements that plans cover COVID-19 testing and vaccines, is set to expire on May 11, 2023, and is unaffected by the end of the National Emergency.)

Both orders—the National Emergency and the PHE—had been set to expire on May 11. In response to H. J. Res. 7, the agencies have clarified informally that they intend to continue to use May 11—rather than April 10—as the relevant date in applying guidance on the end of the National Emergency.

The content of this article is intended to provide a general guide to the subject matter. Specialist advice should be sought about your specific circumstances.

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